This book gathers contributions that shed light on the interrelationship
between key features of the United Nations Convention on Contracts for
the International Sale of Goods (CISG) and domestic sales and contract
law.

The contributions in this book from the University of Copenhagen’s
Centre for Commercial Law, cast new light on the interrelationship
between key features of the United Nations Convention on Contracts for
the International Sale of Goods (CISG) and domestic sales and contract
law.

The Nordic region has a special interest in this project, as 2014 marks the 25th anniversary of the ratification of the CISG in most of the Nordic Countries. But the interaction between the CISG and domestic law is not
merely a Scandinavian concern. CISG Article 7 expressly requires that in the interpretation of the CISG,
“regard is to be had to its international character and to the need to promote uniformity in its application”. With
particular emphasis on issues relating to Contract Formation, Conformity of Goods and Hardship, the authors
discuss how CISG rules and principles impact on or are influenced by domestic sales and contract law, both in
the Nordic region and elsewhere.